OFFICIAL PUBLICATION OF THE MONTANA FUNERAL DIRECTORS ASSOCIATION

Pub. 1 2022 Issue 1

compliance-alert

Compliance Alert: Handling Vendor Surcharges

As many of you may have read, in response to the soaring inflation gripping the country (an increase of 6.8% compared to 12 months ago and its highest level in 39 years), many vendors have begun instituting surcharges on their products. Perhaps you’ve read about these surcharges, or you might have received a letter directly from your vendor. Because the price of raw materials and supplies has surged due to a worldwide shortage of supplies, companies favor a temporary surcharge instead of a general base price increase, which would be instituted to address the inflationary pressures that continue to drive up costs.

The increasing commoditization of funeral goods has resulted in more price sensitivity than in years past. While everyone wants to provide the families they serve with quality products, increasing competition — especially from overseas — has resulted in heightened competition in price and quality, forcing vendors to keep their prices in line with ever-increasing market pressures.

Tacking on a surcharge, as opposed to increasing the base price, is a way to recover increased costs while conveying the temporary intent of the fee and keeping the base price competitive. How “temporary” these surcharges and the factors that necessitated them remains to be seen.

How Should Funeral Homes Handle Surcharges?


While some vendors have not commented on how funeral homes should handle the surcharges, a few have advised their funeral home clients to add the surcharge as a line item on the GPL. However, the Federal Trade Commission (FTC) has previously admonished funeral homes about adding a surcharge as a line item on the GPL since it is a violation of the Funeral Rule.

This came up several years ago when gas prices spiked, and some businesses imposed a fuel surcharge on their customers. Several funeral homes wanted to do the same for removal, hearse and limousine charges, but the FTC staff stated that they considered such an addition to be a potential Funeral Rule violation since the consumer should be able to look at one price to determine whether they want to purchase a service and not be required to add up various fees for a service the Funeral Rule requires be itemized.

The FTC Staff stated that funeral homes should simply raise prices for these items to cover higher gas prices, rather than separating the fees for the service. The same rationale would apply here. If the funeral home incurs a commodities surcharge, it should simply raise its casket prices or basic services fee to capture increased costs or surcharges.

If you’d like to increase your non-declinable basic services fee to include recovery of overhead, such as surcharges, you may add the phrase “and overhead” after the word “services” on your GPL:

The goods and services shown here can provide to our customers. You may choose only the items you desire. However, any funeral arrangements you select will include a charge for our basic services and overhead. If legal or other requirements mean you must buy any items you did not specifically ask for, we will explain the reason in writing on the statement we provide describing the funeral goods and services selected.

This advice also applies to additional fees and costs you may incur to cover additional PPE and sanitation measures needed to protect funeral home staff from COVID-19, as the FTC does not permit surcharges for PPE or other measures. As with vendor surcharges, you may increase your fees on the GPL to cover additional costs to the funeral home, but you cannot impose a surcharge.